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August 2, 2016
Los Angeles, CA
Delegation and Organization Procedures BranchAIR-160
General Session Presentation PrintoutSection 508 Compliant
Section 508 requires that when federal agencies develop, procure, maintain, or use electronic and information technology (EIT), individuals with disabilities have access to and use of information and data that is comparable to the access and use by individuals without disabilities. For more information visit: Section508.gov.
Use of the information provided in this document is for general reference only. This document can be superseded at any time by the next revision or expiration of the referenced information.
Renewal Requirements
FAA22000002 DER Recurrent General Session
FAA Order 8100.8D paragraph 803.g. states: "DERs must attend a recurrent seminar every 2 calendar years to maintain their knowledge of the regulations and policies and as a condition for renewal. DERs may satisfy the 2 year requirement by attending a DER seminar in the calendar year it is due.
Contact EDR Training
If you have any questions or comments concerning the content of this document, send an email to the Engineering Designee Recurrent Training Branch.
For Program Information visit our website: Engineering Designee Recurrent Training Information
http://www.section508.gov/mailto:[email protected]://www.faa.gov/other_visit/aviation_industry/designees_delegations/training/der_recurrent/
Table of Contents
Renewal Requirements
Contact EDR Training
Agenda
List of Acronyms
Engineering Designee Training Overview Tony Jopling (AIR-160)
Stump the Regulator All AIR-160
What’s New? ..... Jon Mowery (AIR-160) 1. Recent Policies 2. Defense of the Designee Systems 3. Update to Designee Management System (DMS) schedule 4. Repairs and Repair Specifications 5. Additive Manufacturing 6. Updates to the DER Handbook (8110.37) 7. § 23 Rewrite
Level of FAA Project Involvement Kevin Kendall (AIR-160)
UAS Type CertificationLAACO Certification
Process Improvements
AM Checklist
2016 Engineering Designee Recurrent Seminar General Session
Los Angeles, California August 2, 2016
8:00 – 8:15 Intro/Logistics/Announcements Tony Jopling (AIR-160)
8:15 – 8:30 Welcome TBD / Kevin Kendall (AIR-160)
8:30 – 9:00 Engineering Designee Training Overview Tony Jopling (AIR-160)
9:00 – 9:30 Stump the Regulator All AIR-160
9:30 – 10:00 Break
10:00 – 12:00 What’s New Jon Mowery (AIR-160)
12:00 – 1:30 Lunch
1:30 – 2:30 Level of FAA Project Involvement Kevin Kendall (AIR-160)
2:30 – 3:00 General Questions / Learning Assessment / Break
3:00 – 3:30 UAS Type Certification Dara Albouyeh (LAACO)
3:30 – 4:30 LAACO Certification Process Kevin Hull (LAACO / Improvements Mauricio Kuttler (LAACO)
AIR-160 Engineering Designee Recurrent Seminar List of Acronyms
Acronym/Symbol Definition § Section 14 CFR Title 14 of the Code of Federal Regulations AC Advisory Circular ACE Small Airplane Directorate (SAD) ACO Aircraft Certification Office AD Airworthiness Directive ADO Approved Design Organization AEG Aircraft Evaluation Group AIA Aerospace Industries Association AIR Aircraft Certification Service AIR-1 Director, Aircraft Certification Service AIR-100 Design, Manufacturing & Airworthiness Division AIR-110 Certification Procedures Branch AIR-120 Technical & Administrative Support Staff Branch AIR-130 Systems & Equipment Standards Branch AIR-140 Operational Oversight Policy Branch AIR-150 System Performance and Development Branch AIR-160 Delegation and Organization Procedures Branch ASTC Amended Supplemental Type Certificate ASW Rotorcraft Directorate ATC Amended Type Certificate ASTM American Society for Testing and Materials AVS Aviation Safety
C of A Certificate of Airworthiness CA Certificating Authority (a.k.a. exporting authority) CBT Computer Based Training CDO Certified Design Organization CDPO Certified Design Production Organization CFR Code of Federal Regulations CLOA Certificate Letter of Authorization CMACO Certificate Management ACO COA Certificate of Authority COS Continued Operational Safety CP Certification Plan CPN Certification Project Notification
DAH Design Approval Holder DAR Designated Airworthiness Representative DBR Delegation by Regulation DER Designated Engineering Representative DIN Designee Information Network DMS Designee Management System DOT Department of Transportation DRS Designee Registration System
Page 1 of 3 Last updated: March 21, 2016
AIR-160 Engineering Designee Recurrent Seminar List of Acronyms
E&PD Engine and Propeller Directorate ECO Engine Certification Office EDR Engineering Designee Recurrent EMI Electro-Magnetic Interference
F Fahrenheit F&R Function and Reliability F/A Flight Attendant FAA Federal Aviation Administration FAATC Federal Aviation Administration Technical Center FADEC Full Authority Digital Engine Control FANS Future Aeronautical Navigation System FAQ Frequently Asked Questions FAR Federal Aviation Regulation FCAA Foreign Certification Airworthiness Authority FSDO Flight Standards District Office
GA General Aviation GAMA General Aviation Manufacturers Association GAO General Accounting Office
HQ Headquarters
ICA Instructions for Continued Airworthiness
LOPI Level of Project Involvement
MARPA Modification and Replacement Parts Association MOC Method of Compliance MOU Memorandum of Understanding
NACIP National Automated Conformity Inspection Process NAS National Airspace System NPRM Notice of Proposed Rulemaking NTSB National Transportation Safety Board
ODA Organization Designation Authorization ODAR Organizational Designated Airworthiness Representative OIG Office of the Inspector General OMT Organization Management Team
PACO Project Aircraft Certification Office PMA Parts Manufacturer Approval PNL Program Notification Letter POA Production Organization Approval POC Point of Contact PSCP Project Specific Certification Plan PSP Partnership for Safety Plan
Page 2 of 3 Last updated: March 21, 2016
AIR-160 Engineering Designee Recurrent Seminar List of Acronyms
PTRS Program Tracking and Reporting Subsystem
R&A Repairs and Alterations RBDM Risk Based Decision Making RBRT Risk Based Resource Targeting RFC Request for Conformity RGL Regulatory and Guidance Library
SAD Small Airplane Directorate SAIB Special Airworthiness Information Bulletin SAR Selection, Appointment, and Renewal SFAR Special Federal Aviation Regulation SME Subject Matter Experts SMS Safety Management System SOP Standard Operating Procedure SRM Safety Risk Management STC Supplemental Type Certificate
TAD Transport Airplane Directorate TBD To Be Determined TC Type Certificate TCDS Type Certificate Data sheet TSO Technical Standard Order TSOA Technical Standard Order Authorization
UM Unit Member
Page 3 of 3 Last updated: March 21, 2016
Federal Aviation Administration
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Engineering Designee Training Overview
Presented to: 2016 Engineering Designee Recurrent Seminar
Seminar Program Overview • Online Website & Updates • Course Fees • Recurrent General Session • Renewal Requirements • Seminar Locations • Recurrent Technical Sessions • New Courses • Course Certificate and Instructions • Future Improvements • Feedback • Contact Us
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Designee Training Program Website
• http://www.faa.gov/other_visit/aviation_industry/designees_delegatio ns/training/DER_Recurrent/
• Best Place for Most Up to Date Information – General Session Schedule – ODA Training Information – Technical Session Updates – Deviation Memos – etc.
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http://www.faa.gov/other_visit/aviation_industry/designees_delegations/training/DER_Recurrent/http://www.faa.gov/other_visit/aviation_industry/designees_delegations/training/DER_Recurrent/
Course Fees • Necessary to begin to return course fees to normal level • This means all courses will see some sort of increase in tuition• Some new courses will see the fee structure change • Changes will occur over the next calendar year
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Recurrent Seminar General Session • Focus on material applicable to all (or most) attendees such as: - Changes in Designee Management - Changes in TC/STC Process - Changes in TSO/PMA
• ½ to 1 day in-person (face to face) • Same Locations as Previous Years
- Every Year: Atlanta, Seattle, Los Angeles, Ft. Worth, Wichita - Every 2 Years (Alternating): New York, Denver, Chicago,
Boston, Anchorage
• Renewal Requirements
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Renewal Requirements • The requirements for DER Recurrent training are contained in
Para 803 (g) of FAA Order 8100.8D. The online training has NOT changed that requirement. For example, if you last completed recurrent training anytime in 2014 then you must complete recurrent training during 2016, i.e. before January 1, 2017.
• FAA Order 8100.8D paragraph 803.g. states: "DERs must attend a recurrent seminar every 2 calendar years to maintain their knowledge of the regulations and policies and as a condition for renewal. DERs may satisfy the 2 year requirement by attending a DER seminar in the calendar year it is due."
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Seminar Locations DER & ODA Location Rotation (Tentative Schedule)
Last Updated: 3/9/2016
Month 2015 2016 2017 2018
March Wichita Wichita Wichita Wichita
April Wichita Fort Worth
Fort Worth Fort Worth Fort Worth
May Boston New York Boston New York
June Anchorage Fort Worth - ODA Anchorage
July Atlanta Denver Chicago Denver
August Seattle Seattle Los Angeles
Boston - ODA
Seattle Seattle
September Chicago Los Angeles Los Angeles Los Angeles
October Los Angeles Atlanta Atlanta Atlanta
November Chicago (Blank) (Blank) (Blank)
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Recurrent Seminar Technical Sessions
• Entirely web based – Electrical Systems and Structures completed in June
and July 2012 (respectively) – Flight Test, Mechanical Systems and Propulsion
released in April 2013 • Response to online courses has thus far been very positive – Most designees appreciate the ability to complete
training on own time in own location
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Development of New Courses
• Training Cycles – Phase approach – Up to now all topics (General Session and all Technical Sessions)
changed every two years
– Topics will continue to change every two years • Note: Some topics are continued past two years, but they have have
updated content.
– Course development:
• Electrical and Structures cycle - available on even years
• Flight Test, Mechanical Systems, and Propulsion -available on odd years (See Table)
– Changes on the Horizon • Individual Courses released as available • Designees able to pick from list of courses • Yearly or Bi-Annual Training Tuition (flat rate)
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Course Certificate
• Course Certificate: Issued after up to 4 hours after successful completion. – If you do not receive a course certificate:
• Grade not recorded: System error, browser, etc. • User did not meet the course requirements:
– For example, user completed 4 of 6 topics. Requirements are provided at registration (DRS), in the course and course printout.
– Do not wait until Jan after the course expires to figure this out
– You may retrieve your current and past certificates from DRS (see FAQ webpage)
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Course Instructions • Course Instructions are provided to help you successfully
complete a course. Instructions are provided on – Blackboard Designee Tab – Course Menu of each course – “How to use this course” overview – New courses will have system requirements on the 1st page.
• ‘Next’ button not available – read user navigation instructions on the lower left hand corner of course page. Examples include:
– Click on the FAA Expert icon to learn more. Then click on the Next arrow to continue.
– Click on the graphic to view the video. Then click on the Next arrow to continue.
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Further Improvements Coming • We hope to be able to create a system that provides more
individualized training • Current Plan:
– Designees would complete “Core Courses” based upon their specific authorization
– Other topics within that discipline will be identified as “Specialty” Courses – Designees will be required to complete all “Core” Courses within their
discipline – Designees may be required to take a certain number of “elective”
courses that they will be able to choose – This will significantly reduce the designees completing material that does
not apply to their actual authority
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We Need Your Help!
• Feedback: – Engineering Designee Seminar Program is YOUR
program – Most topics come from field suggestions
(Designees, ACOs, Directorates, etc.) – Future changes/improvements will include input from
our designees – There are many ways YOU can provide input
• End of course Survey • Website: Contact us Email: [email protected] • Each course provides a Contact Us button
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mailto:[email protected]
Contact Us Please allow time to look into your problem and respond. The program is growing and we are doing our best to respond to all inquiries in a timely manner.
1. For content specific questions each course will now have contact information for the Subject Matter Expert (SME) for that course. Please contact the SME for content related questions.
2. Preferred Method: Email: 9-AMC-EDR [email protected]. Each course has a Contact Us Menu Item. Provide as much information as possible:
• Be sure to include the following information: • Course Number and title for example: (27200106) Electrical: Electronic Flight Bag • Page Number: Page 5 of 25 • Explain the error found • Provide a screen shot if possible
3. If you decide to call and leave a Message: • a. Clearly Provide your full name. Not a nick name -- name as it appears in DRS. • b. Course #, Lesson and problem: We can troubleshoot and perhaps correct the issue if we have the
details before we contact you by email or returning your call.
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mailto:[email protected]
Questions
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Federal AviationAdministration
Stump the
Regulator
Presented to: 2016 Engineering Recurrent Seminar
Stump the Regulator
• Open Q&A session with everyone from FAA Headquarters on stage
• We reserve the right to tap into local FAA knowledge
• Any question relating to delegation of any kind is fair game
• Prize to those who manage to stump us Note: Not liking our answer is not stumping us
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Sample questions
• Question: – As a DER I last took the general session training in
Sept of 2014. My renewal is in Aug of 2016. Can I be renewed or do I have to take the training before?
• Answer: – Yes, you can. The training requirement is once
every 2 calendar years, which means you have until Dec 31st of 2016 to take the training in this scenario.
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Sample questions
• Question: – Can a Repair Specification be created for minor
repairs? • Answer:
– No, Repair Specification approvals are for major repairs ONLY. Minor repairs only require acceptable data not approved data and therefore no 8110-3 or 8100-9 is required.
Ref 8110.37E and 14CFR 43
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Sample questions
• Question: – I see there is something called a “vintage DER” Do I
have to have that before I can work on Vintage Airplanes?
• Answer: – No, a vintage DER is a DER who did not meet all the
qualifications of a DER but who has demonstrated expertise in a certain type of vintage aircraft.
Ref 8110.37E
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Questions before
we begin?
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Ok, then let’s see if you can
STUMP THE REGULATORS
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Federal AviationAdministration
What’s New ?
Presented to: 2016 DER Recurrent Seminar
What’s New?
• History • Concept • Feedback
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What’s New? Topics List • Recent Policies • Defense of the Designee System • Update to Designee Management System (DMS) schedule
• Repairs and Repair Specifications • Additive Manufacturing • Updates to the DER Handbook (8110.37)• §23 Re write
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Recent Policies
• Where can Policy information be found? • http://rgl.faa.gov/Regulatory_and_Guidance _Library/rgPolicy.nsf/
• This site contains Policy that has yet to be incorporated in FAA guidance
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http://rgl.faa.gov/Regulatory_and_Guidance_Library/rgPolicy.nsf/http://rgl.faa.gov/Regulatory_and_Guidance_Library/rgPolicy.nsf/
Recent Policies
• As an example, we recently published a memo allowing for the delegation of Emissions findings
• Policy number AIR100-14-140-GM13 • This policy allows ACO’s to delegate to qualified individuals findings of compliance to 14 CFR part 34
• It also provides for the delegation to ODA’s
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http://www.airweb.faa.gov/Regulatory_and_Guidance_Library/rgPolicy.nsf/0/E317C1AEF266A73886257D0F004BD018?OpenDocument
Questions?
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Federal AviationAdministration
Defense of the Designee System
Presented to: 2016 DER Recurrent Seminar
Defense of the Designee System
• Why do we make the changes we do?
• Why are we tracking and documenting more?
8Federal Aviation Administration
Defense of the Designee System
• Congress instructs the FAA on what to do – How do they make sure we are doing what they told
us to? They audit us – The Government Accountability Office or Office of
the Inspector General conduct audits of the FAA • Additionally, other Countries, when deciding whether or not to accept FAA findings conduct audits of our system
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Defense of the Designee System
• Designees are a large part of our system • Naturally audits of our system spend a large portion of time focusing on how we manage the designee system
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Defense of the Designee System
• We need to be able to answer, with data, the following types of questions: – How are the FAA designees:
• Trained? • Appointed? • Terminated if needed?
– How does the FAA ensure: • Findings made by designees are correct? • Initiate corrective action on designees?
– How does the FAA determine what to delegate?
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Defense of the Designee System
• The first, best defense of our system is our accident rate, and we use that
• But we also need to be able to point to documented processes that answer those questions
• This is what drives a lot of the changes you see in our orders and things like our new DMS tool
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Questions?
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Federal AviationAdministration
Designee Management System (DMS)
Presented to: 2016 DER Recurrent Seminar
What is DMS?
• DMS is a web based tool for the FAA to use in managing its designees
• Created in Response to a Government Accountability Office (GAO) audit of the FAA
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What will DMS do?• It will roll up
– Appointment – Renewal – Terminate as well as provide for the management of the delegation
• Link with NACIP, our conformity delegation program
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Current Deployment Schedule
• DMS is up and running for Manufacturing Designees, and Aeromedical
• AFS is next • DERs are last and should be transferred in the Fall of 2017
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Electronic 8110-3
• One of the major changes • Short of a system failure, will be the only way to file a 8110-3
• Will be a series of questions, then program generated form for authorization
• Will be able to use past forms to generate new ones
• Will no longer have to submit forms to ACO
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Questions?
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Federal AviationAdministration
Repairs, Alterations, and Repair Specifications
Presented to: 2016 DER Recurrent Seminar
Repairs & Alterations
8110.37E defines a repair as: A repair is the restoration of a damaged product or article accomplished in such a manner and using material of such quality that its restored condition will be at least equal to its original or properly altered condition (with regard to aerodynamic function, structural strength, resistance to vibration and deterioration, and other qualities affecting airworthiness)
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Repairs & Alterations
8110.37E defines an alteration as: An alteration is the modification of an aircraft from one sound state to another sound state; the aircraft meets the applicable airworthiness standards both before and after the modification.
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Repairs & Alterations
Q: When can a DER be involved? A: When data must be approved
Q: When does data have to be approved? A: Only for a major repair or major alteration
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Repairs & Alterations
• It is not the DERs responsibility to determine whether or not the repair or alterations in major or minor
• It is the responsibility of the entity (IA, Repair Station, etc.) returning the aircraft to service to determine the type of data (acceptable or approved).
• Ref AC 43-210 301(b)
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Repairs & Alterations
• The requirement for approved data vs acceptable data is a combination of 14 CFR Part 43 which tells you that all maintenance tasks must be done with data acceptable to the FAA. It also specifies who can perform maintenance tasks.
• Then, the operational rules i.e. 65, 145, 121, 135, etc. contain the requirement for FAA approved technical data for major repairs and alterations
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Repairs & Alterations
§43.13 Performance rules (general). (a) Each person performing maintenance, alteration, or preventive maintenance on an aircraft, engine, propeller, or appliance shall use…methods, techniques, and practices acceptable to the Administrator…”
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Repairs & Alterations
• §65.95 Inspection authorization: Privileges and limitations
(a) The holder of an inspection authorization may— (1) Inspect and approve for return to service any aircraft or related part or appliance (except any aircraft maintained in accordance with a continuous airworthiness program under part 121 of this chapter) after a major repair or major alteration to it in accordance with part 43 [New] of this chapter, if the work was done in accordance with technical data approved by the Administrator
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Repairs & Alterations
§121.379 Authority to perform and approve maintenance, preventive maintenance, and alterations. (b) A certificate holder may approve any aircraft, airframe, aircraft engine, propeller, or appliance for return to service after maintenance, preventive maintenance, or alterations that are performed under paragraph (a) of this section. However, in the case of a major repair or major alteration, the work must have been done in accordance with technical data approved by the Administrator.
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Repairs & Alterations
§135.437 Authority to perform and approve maintenance, preventive maintenance, and alterations. (b) A certificate holder may approve any airframe, aircraft engine, propeller, rotor, or appliance for return to service after maintenance, preventive maintenance, or alterations that are performed under paragraph (a) of this section. However, in the case of a major repair or alteration, the work must have been done in accordance with technical data approved by the Administrator.
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Repairs & Alterations
§145.201 Privileges and limitations of certificate. (c) A certificated repair station may not approve for return to service
(2) Any article after a major repair or major alteration unless the major repair or major alteration was performed in accordance with applicable approved technical data;
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Repairs & Alterations
• What does all that mean? • Basically all repairs and alterations need to be done in accordance with data acceptable to the FAA, the exception is that all major repairs and alterations must be done in accordance with technical data approved by the FAA
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Repairs & Alterations
This is explicitly spelled out in Order 8110.37 4-12 (a) and (b) Major alterations and major repairs must be accomplished in accordance with technical data approved by the Administrator Minor repairs and minor alterations do not require FAA engineering approval. As such, DERs cannot approve minor repairs or alterations.
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Repairs & Alterations
• Yet, we are still seeing repair and alteration approvals via 8110-3s for what are clearly minor repairs and alterations
• While the determination of whether or not a repair or alteration in major is not the responsibility of the DER, we do expect you to follow the order and NOT approve data for what is clearly a minor repair/alteration
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Repairs & Alterations • Not following our system for return to service after a repair or alteration causes confusion on the part of mechanics and inspectors
• If they always see an 8110-3 approving data, even when it’s not necessary, they expect to always see one
• This results in hardship for those that follow the system where they have to explain one is not needed
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Repair Specifications
• Have been required for all multiple non serial number specific, non DAH repairs since 2012
• Generally working well but there are some issues
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Repair Specifications
• This first is what we just talked about for single repairs.
• Repair Specifications are only for major repairs
• Second are issues with using Repair Specifications as a means to circumvent PMA
• Third using them to repair TSO articles with no certification basis established
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Repair Specifications
• Example of issues 1 and 2 • A repair specification came in to ACO as recommend approval for a fuel probe clamp
• The only data associated was a drawing showing how to cut and bend a piece of sheet metal to fabricate the clamp
• Basically they were using a DAH maintenance procedure but wanted to manufacture the clamp
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Repair Specifications
• NOT a major repair • There are acceptable methods to fabricate a part during maintenance where the next higher assembly level is returned to service but they require a quality system
• A repair specification is not the correct path
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Repair Specifications
• We are currently working on an INFO for seat belts specifically
• Seats belts are a good example since for the case of dynamic seat requirements the fact the seat belt as repaired meets the TSO may not be sufficient to allow it to function properly with dynamic seats.
• This makes it necessary to know the certification basis in order to determine if the as repaired part can meet the required regulations
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Repair Specifications
• General Guidelines for Repairs to TSO articles – A repair to a TSO article is the same as a repair to any other
aircraft part you must: • Know the certification basis in order to determine which
regulations apply and need to be found in compliance • Identify if the data you are approving is not the complete data
set required
• The ONLY difference is that in the case of a TSO article being repaired you must evaluate whether it still meets the TSO and if not mark out the TSO marking
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Questions?
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Federal AviationAdministration
Additive Manufacturing
Presented to: 2016 DER Recurrent Seminar
Additive Manufacturing
• Definition • Existing Policy • Expectations of Designees
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Additive Manufacturing
• Additive Manufacturing (AM) also known as “3D Printing” refers to a range of fabrication methods, both metallic and nonmetallic, where basic material forms (such as metallic powders, wire, resin, etc.) are processed in a machine to produce near-net shape parts
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Additive Manufacturing
• Link to recent memo to ACO’s regarding AM• http://rgl.faa.gov/Regulatory_and_Guidance _Library/rgPolicy.nsf/0/6AB4787EF524BF07 86257F0700597E6B?OpenDocument
• Or just search rgl.faa.gov under “Policy” by issue date and look for June 3, 2015
• Requests certain information about projects involving AM to the FAA AM National Team, AMNT
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http://rgl.faa.gov/Regulatory_and_Guidance_Library/rgPolicy.nsf/0/6AB4787EF524BF0786257F0700597E6B?OpenDocumenthttp://rgl.faa.gov/Regulatory_and_Guidance_Library/rgPolicy.nsf/0/6AB4787EF524BF0786257F0700597E6B?OpenDocumenthttp://rgl.faa.gov/Regulatory_and_Guidance_Library/rgPolicy.nsf/0/6AB4787EF524BF0786257F0700597E6B?OpenDocumenthttp://rgl.faa.gov/Regulatory_and_Guidance_Library/rgPolicy.nsf/0/6AB4787EF524BF0786257F0700597E6B?OpenDocumenthttp:rgl.faa.gov
Additive Manufacturing • The list of information requested is as follows – Company name – Type of application (e.g., TC/ATC/STC, PMA) – Product type (e.g., engine, aircraft part) – Make, model, component or part – Part criticality – Specify the AM manufacture methodology (e.g., polymer,
metal, etc.). – ACO point of contact (e.g., project engineer) – DER involvement: Yes or No.
• If yes, what regulations are/were used for showing compliance?
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Additive Manufacturing • At this site you’ll see that the Transport Airplane Directorate lays out the need for an Issue paper if AM is to be used
• https://www.faa.gov/aircraft/air_cert/design_ approvals/transport/media/rptTAIListForPub licWeb.PDF – You may need an issue paper to establish a means
of compliance with §§ 25.603, 25.605 and 25.613 to develop appropriate design values for additive manufactured materials that account for variability in materials, geometry and manufacturing processes
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https://www.faa.gov/aircraft/air_cert/design_approvals/transport/media/rptTAIListForPublicWeb.PDFhttps://www.faa.gov/aircraft/air_cert/design_approvals/transport/media/rptTAIListForPublicWeb.PDFhttps://www.faa.gov/aircraft/air_cert/design_approvals/transport/media/rptTAIListForPublicWeb.PDF
Additive Manufacturing
• What does this all mean for the designee? • Basically AM is a new fabrication method and the FAA would like to make sure we understand how it’s being used
• To that effect we may require information from you and even Issue Papers if warranted
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Additive Manufacturing
• If you are involved in projects or activities that use AM please contact your advisor for the latest FAA policy
• In the CD and in your booklet you’ll find a copy of a checklist put together by the Transport Airplane Directorate that will provide a starting point of basic questions
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Questions?
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Federal AviationAdministration
Rev F to Order 8110.37
Presented to: 2016 DER Recurrent Seminar
What’s planned for in 8110.37F
• 8110.37F is not out yet, but is projected to be out for comment by summer of 2016
• Here are some of the changes planned – Remember nothing is final or required until the order
is published
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What’s planned for in 8110.37F
• No more DER Candidates – anyone who fit the previous description will now be
a DER with authority limited to Recommend Approval only
• A note will be added to address the removalof Administrative and Management DERs– Management function will now be a special authority
similar to Repair Specification • Added a section on rescinding an 8110-3 after it’s been issued
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What’s planned for in 8110.37F
• Adding a section on repair of TSO products– Cannot just repair a part that was produced under a
TSOA to the TSO – Must address the certification basis of the product
upon which the repaired part will be installed on
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Questions?
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Federal AviationAdministration
14 CFR Part 23
Rewrite
Presented to: 2016 DER Recurrent Seminar
14 CFR Part 23 rewrite
• The entire part 23 has been rewritten • It will be less prescriptive • The philosophy will be to have the WHAT we want to happen in the rule (e.g. keep occupants from severe injury during a crash) and put the HOW into Method Of Compliance (MOC) documents
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14 CFR Part 23 rewrite • The rule and the MOC documents will be used together to show compliance
• Initially the new form (Rule and MOC documents) will look very similar to the current 14 CFR Part 23 at amendment 62 because that was our starting point for the ASTM documents
• As time goes by changes to the ASTM MOC’s and other accepted MOC documents will result in a more streamlined process for applicants
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14 CFR Part 23 rewrite
• This is a rather dramatic departure from the past
• The comment period has closed and the comments are currently being evaluated
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http://federalregister.gov/a/2016-05493
Questions?
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Level of FAA Project Involvement
Presented to: 2016 DER Recurrent Seminar
What is Level of Project Involvement (LOPI)?
• How much or how little the FAA participates on each project
• FAA participation includes employees and designees• Applicant’s actions may or may not be affected.
Examples: – Accept test data that shows compliance – Require test to be performed with designee involvement – Require test with ACO engineer involvement
2Federal Aviation Administration
How does FAA determine LOPI?
• Part of Compliance Planning • Required vs optional (discretionary) • Where does involvement derive the most benefit?
– Decisions or events critical to safety – Based on project team member experience – How complex is the requirement? – Confidence in applicant – Applicant’s experience – Internal processes – Proposed designees
3Federal Aviation Administration
Why is FAA allowed to vary LOPI?
• FAA has Limited resources • Applicant is responsible for compliance • Applicant’s must make a certifying statement
of compliance
– Statement required prior to receiving designapprovals.
– Based on certification activities that show complianceand how compliance was managed (via a compliancelisting, for example)
The applicant ALWAYS has to show compliance FAA has discretion in how we determine Compliance
4Federal Aviation Administration
FAA Discretion • FAA has discretion to determine how much orhow little of an applicant’s showing to review (Designees don’t have this discretion)
• FAA makes the level of involvementdetermination based on risk
• Risk determination has been made subjectivelyin the past
• Risk Based Decision Making (RBDM) tools canassist in these determinations – 14 CFR part prioritization – Risk Based Resource Targeting
5Federal Aviation Administration
How does Risk equate to Level of Involvement?
• Project areas have various risks associated with them, but the LOPI decision focuses mainly on safety risk of a noncompliance
• This risk is made up of the severity (consequences) of a noncompliance combined with the likelihood of the noncompliance occurring
• Contributors are – Relative risk rating of each rule section – Applicant experience – Designee experience – Safety record
6Federal Aviation Administration
Where and how is the FAA involved based on risk “Levels”
• The outcome of the safety risk process is relatively simple, resulting in it either being High, Medium, or Low – High suggests direct FAA involvement – Medium suggests FAA involvement through
designees – Low suggests that FAA resources aren’t
necessary and the FAA can rely on applicant’s submittal without review (“applicant showing only”)
7Federal Aviation Administration
Why “Applicant Showing Only” is a benefit
• FAA uses delegation to leverage its workforce, doingwhat ACO staff would otherwise do– Managing delegation requires applicant and FAA resources – Applicant capability contributes to delegation decisions
• Applicant capability may also reduce resources needed– Example: Compliance demonstration without FAA/designee involved
provides applicant more control of cost and schedule – May still rely on DER workforce directly or indirectly
• Robust applicant capability is the foundation of SafetyManagement System (SMS) approach to certification– Approved Design Organization (ADO) – Certified Design Production Organization (CDPO)
8Federal Aviation Administration
Federal AviationAdministration
UAS Type Certification:Past, Present, and Future
Presented to: 2016 DER Recurrent Seminar
Federal Aviation Administration
UAS Type Certification
Past, But Not That Long Ago :
• Non-Military UAS operations under “Public Aircraft” or “Experimental “ only!
• “Public Aircraft” Operations Require Certificate Of Authorization (COA)
• No FAA Type Certificated (TC) Product
• Regulatory Requirements and Oversight Requirements Not Developed
2
•
•
•
UAS Groups
I I I I I I I I I
FAA Modernization & Reform Act of 2012 Civil UAS Integration in the NAS
Requirements
Public Aircraft : Sec. 334 ~ COA
Civil Aircraft: Sec. 332 (Revenue & Non-revenue operations)
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I I I I I I I I I
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R-CATTC §21.25 §21.27
Standard TC §21.21 §21.17(b)
Experimental C of A (No TC) §21.191 §21.175(b)
Exempt Aircraft: sec. 333 .... Exemption Authorization 2 y .. r authorlution for c:t!Uin line-of -sf&ht UAS ufe operation
• Temporarymeuure
Model Aircraft: Sec. 336 ~ FAA Advisory Circular AC 91.S7 (Model Aircraft Operating Standard)
UAS Type Certification
Federal AviationAdministration
3
UAS Type Certification 21.17(b) Type Certification Process
Present:
Federal Aviation Administration
4
§ 21.17(b) UAS Process Flow (DRAFT) --------------------------------( \
I Acronyms & Abbreviations 1 AC: Advisory Circular
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UAS Type Certification
Federal AviationAdministration
5
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UAS Type Certification
Federal Aviation
Administration
6
Federal Aviation Administration
UAS Type Certification
Before The Applicant Proceeds: • Clear Vision and Mission
• Requires close and positive working Relationship with the FAA
• Be Prepared For The Long Haul; Could Take Up to 3 Years!
• Depends On your Concept Of Operation (CONOP)
• Mitigation of the Hazards
• Operational Risk Assessment (ORA) is “Key” to Knowing Your Hazards!
• Have System Safety Expertise to Support the ORA
• FAA will Provide Guidelines on CONOP & ORA
7
Federal Aviation Administration
UAS Type Certification
Near Future: • Part 107 small UAS Rule • UAS Type Certification Advisory Circular (AC) for Fixed Wing and Rotorcraft
UAS • ASTM standards (Revisions & New) • Standard Specification for Batteries for Use in Small UAS • Standard Specification of the Design of the command and Control System for
Small UAS • Detect and Avoidance systems • Production Acceptance of a Small UAS • Scalable Production Certification of UAS
8
Applicant Showing
• Reflected in policy – Streamlined PMA Order 8110.119 (11/30/12) – Guidance for Recognition and Use of Applicant Showings on
Standard Certification Projects AIR100-15-150-PM16 (9/30/15)
• Future – 8110.4D Type Certification
• Promotes applicant responsibility and ability for FAA to adjust involvement based discretion
– 8100.15C ODA Procedures • Applicant capability is largely established as a prerequisite to
ODA • FAA involvement decision is largely made as part of the ODA
authorization – FAA LOPI Order
9Federal Aviation Administration
Implementing an efficient LOPI decision process • Depends on partnerships working toward a common goal
– Define what FAA and applicant want the future to look like – What will it take to get there?
• Pursue applicant showing without FAA involvement – Largely untapped resource – Follow AIR Policy Memo which allows it for Low Risk – Start simple: conformity, witnessing, and low risk testing/findings – Future: More complex for data analysis and testing and may depend on
• People • Processes • Auditing
10 Federal Aviation Administration
FAA Level of Involvement and DERs
• A DER is an FAA compliance finder
• A DER was previously a compliance showing expert
• FAA LOI depends on applicant’s compliance showing expertise
• What FAA LOI means to you – Defines what you’ll do on FAA’s behalf – Possibly results in what you’ll do on the applicant’s behalf – Could increase your value to the applicant
11Federal Aviation Administration
Summary
• FAA level of involvement should be determined by risk level
• Applicant always has to show compliance and provide method that they used to do so
• FAA has discretion and can reduce resources by limiting involvement where appropriate
• FAA has already reduced FAA resources by using designees
• Further reduction possible by recognizing applicant showing and focusing designee resources
• Applicant capability foundation of future SMS approach
12 Federal Aviation Administration
Federal Aviation Introducing Administration LAACO Certification Process Improvements
Presented to: 2016 DER Recurrent Seminar
Federal Aviation
Administration
Federal Aviation Administration
Table of Contents • Objectives • The Accountability Framework • Definitions • Project Prioritization • Risk-Based Resource Targeting(a)• Applicant Showing Only • Changes to Data Submittals • Revised PSCP Template • Summary of Benefits
2
Federal Aviation Administration
Objectives
• Introduce improvements to certification process which support Safety Management System (SMS) initiatives – Explain how improvements will focus on appropriate
allocation of resources based on safety risk – Emphasize the accountability framework – Illustrate how improved processes for applicant and
the FAA aim to make certification more efficient
3
Federal Aviation Administration
Why These Improvements?
• Mandated by Congress – Section 312 of the FAA Reauthorization Act (2012)
in response to industry lobbying to improve FAA certification process
• Project Prioritization (P2) is a national process for Aircraft Certification to allocate limited resources – Provides for a predictable, transparent process
4
Federal Aviation Administration
The Accountability Framework• Reminder of who is responsible for product/part safety
• Describes the roles of the regulator and the regulated
• Applicant is accountable for demonstrating regulatory compliance (Title 49 CFR, and CFRs 21.20, 21.21, 21.303) – Aircraft Certification (AIR) finds compliance and/or
accepts applicant showing of compliance • Applicant is accountable for safety
– AIR promotes safety via regulatory oversight – This has always been true!
5
Federal Aviation Administration
How FAA Improvements will Affect Applicant/LAACO
• All projects are initiated without sequencing delay• FAA accepts Applicant Showing Only in certain cases
• Changes to PSCPs: – LOPI documented in compliance checklist – Contains pre-assigned control numbers for deliverables to
enhance tracking
• Changes to how data is submitted to the LAACO – List which regulations the document shows compliance to – When “Applicant Showing Only” is the acceptable means of
demonstrating compliance, individual signed statements of compliance
6
Federal Aviation Administration
Definitions These terms will be used throughout the presentation and
described more thoroughly in later slides
• Project Prioritization – AIR’s new process that has replaced project sequencing and
assists FAA resource management.
• Applicant Showing Only – The FAA acceptance of applicant showing demonstrations of
compliance only without further FAA/DER review on low-risk regulations
• Accountability Framework – Defines the roles and responsibilities for safety and regulatory
compliance between applicant and the FAA
7
Federal Aviation Administration
Definitions (cont.) • Project Priority Number
– The priority level assigned to a project, indicated in numbers 14
• LOPI – Level of Project Involvement – FAA – DER – Applicant Showing Only
• “Deliverables” – Any compliance material transmitted from the applicant to the
LAACO • Including, but not limited to: test plans, test reports, substantiating
data, descriptive data, etc
8
Federal Aviation Administration
Project Prioritization (P2)
• AIR’s new process that has replaced project sequencing • Supports FAA resource management. • Replaces project sequencing by providing a formalized
methodology for project sharing, when necessary, among ACOs – Example: If project ACO lacks capacity to review a particular test
report, another ACO with available capacity may review that report • ACO review times adjustable based on available resources,
project priority and complexity, and applicant experience• Project priority is indicated on a scale of 1 – 4
– “1” is the highest priority; “4” lowest • LAACO utilizes a Work Tracking System
– Supports project management – Helps ensure response times are met
9
Federal Aviation Administration
P2 Benefits • No delay to project initiation • ACO commitment to agreed-upon response times – Enhances ACO/applicant communication – ACO management has increased visibility of project
status • Improved schedule predictability
– Response times for data reviews are communicated by the LAACO to the applicant
• Better use of FAA resources
10
Federal Aviation Administration
Risk-Based Resource Targeting(a) (RBRTa)
• FAA-internal tool – Requires no input from applicant
• One of AIR’s Risk-Based Decision Making tools to assist ACO engineers in their LOPI determinations
• Applicants will receive RBRTa results during PSCP review, to include: – Project Priority (1 – 4) – LOPI for all applicable regulations
11
Federal Aviation Administration
Applicant Showing Only • Based on complexity of project and experience of applicant, some showings of compliance for low-risk regulations are accepted without any further review by the FAA/DER
• RBRTa is used to standardize and assist how the LAACO determines when Applicant Showing Only is appropriate
• In the future, FAA may expand policy to allow acceptance of showings for medium and high risk regulations
12
Federal Aviation Administration
Applicant Showing Only - Criteria• Per the AIR “Applicant Showing Only” Policy Memo, ASO only authorized when RBRTa recommends Applicant Showing Only, and:
– The applicant has evidence of successfully obtaining FAA approval for that type of specific compliance data on past projects, including projects of comparable complexity and,
– The applicant’s compliance methodology is the same as on past FAA projects and,
– The applicant uses the same person(s) in making the applicant showing, or an auditable documented company process for the compliance methodology is used to develop the specific substantiating data and,
– The company provides a signed written statement of compliance for each regulation that applicant showing was authorized
13
Federal Aviation Administration
Applicant Showing Only - Benefits• Qualified applicants will require less FAAinvolvement
– As applicant experience increases, FAA involvement
may decrease • No waiting for completion of DER/FAA
review– No 8110-3s necessary when Applicant Showing
Only is authorized • Allows FAA/DERs to focus on reviewinghigher risk items
14
Federal Aviation Administration
Changes to How You Submit Data
• LAACO will provide control numbers to be used when submitting all deliverables
• All deliverables will require a listing of which regulations the data is showing compliance – This may be completed via cover sheets
• Standardized subject lines – LAACO will provide standardized nomenclature
(“Correspondence Types”) to label deliverables
15
Revised PSCP Template
• The compliance checklist has been revised.
Federal Aviation Administration
16
Revised PSCP Template (cont.)
• A Deliverables Checklist has been added.
Federal Aviation Administration
17
Federal Aviation Administration
Overall Benefits • Potential for less FAA involvement
– Applicant Showing Only • More efficient processing of data submittals within the LAACO
• Commitment from the LAACO to completedata reviews by known response times
• Standardized method to determine FAA level of project involvement
• Overall focus remains competent compliance
18
Federal Aviation Administration
Questions?
19
Additive-Manufacturing Sample Checklist
Introduction: The introduction of additive-manufacturing (AM) in the production of commercial aviation parts presents a unique challenge for certification. The term additive-manufacturing does not describe one manufacturing method, but a wide range of methods, each with its own set of concerns and requirements. The checklist provided herein is not intended to be comprehensive list of all the questions that need to be addressed to accomplish certification of an AM part, but to provide a basic list of initial questions.
The compliance plan for a given AM part will be affected by: • Component Design Requirements:
o Part classification (e.g., safety critical, durability critical, non-critical) o Materials substitution (are you changing the material system? From what to
what?) Note: Material chemistry alone does not dictate material properties. Using the same material with additive-manufacturing may not yield the same properties.
o Extent of available technical data for the component’s requirements • Component Geometry Requirements:
o Part size (total envelope and volume) o Part complexity (surface area-volume ratio, fraction envelope solid, symmetry) o Dimensional conformance requirements o Surface finish requirements (including internal features where applicable)
Taking into consideration the above factors, an assessment of regulatory compliance needs to address the following:
Basic Materials Requirements: (§25.603) • What is the applicant’s experience with the AM material being proposed? • Are the constituent materials to be used in the AM process being purchased per a
recognized industry specification, or an internal proprietary material specification?
o If using an industry specification, is it from an FAA recognized source and are there any additional controls being applied to ensure the applicant is receiving the correct material?
o If using an internal specification, how is FAA approval being sought? • What testing was conducted to validate that the material selected is suitable for
the applicants intended application? • How has the applicant taken into account the operational environment in
selecting the material? • Has the applicant generated mechanical property curves for the material from test
samples produced via additive-manufacturing using parameters representative of parameters to be used to make parts?
Basic Process Requirements: (§ 25.605) • What AM process is being proposed? • What is the experience of the applicant with this process for manufacturing parts? • How were the key process parameters identified and what controls were
established? • How is the applicant proposing gaining FAA approval of their process
specification? • What AM machine process is the applicant using to qualify it to that process
specification? (If multiple machines will be used, is each machine qualified independently?)
• How are key process parameters being monitored for quality control? • What testing was conducted by the applicant (or being proposed) to verify that the
AM process proposed provide a stable and repeatable product? • What inspections are being used to verify that the final product has been
manufactured correctly?
Inspection Methods: • What are the possible defects in the final parts for which final part inspections
will be conducted? • What are the defect limit sizes and how were they established? • What NDI inspection methods are being proposed to detect the defects during
production? • How were these NDI methods validated?
Development of Strength and Design Values: (§25.613) • Are the AM manufactured articles from which test specimens are being extracted
representative of actual production parts? • What sampling plan is being used to capture the variability of the material being
purchased and the AM process being used to manufacture parts? o How a material batch being defined, and how many batches are being
tested as part of the design values program? o How a production lot being defined, and how many lots are being tested as
part of the design values program? o Is the material used more than once (e.g. recycling powder bed material)?
• How is the expected operational environment of the part being accounted for in the design values test program?
Application of Special Factors: (§ 25.619) • Was the testing conducted to derive design values required by § 25.613 sufficient
to capture the variability of part being fabricated? o Were the specimens used to derive design values extracted from
representative production parts, or individually produced? (If specimens were individually fabricated they may not capture the variability of what is actually being produced.)
o Are specimens are being extracted from representative parts but, because of part geometry, specimens can’t be obtained from all key grain directions?
o Did the test program encompass all the variables in the AM process, machine, and material stock?
Cover - BW FtWorthTX 20162016 Wichita TOC_AgendaTable of Contents
G1_Engineering_Designee_Training - Overview 2016 Ver 2Engineering Designee Training Overview�Seminar Program OverviewDesignee Training Program WebsiteCourse FeesRecurrent Seminar General SessionRenewal RequirementsSeminar LocationsSlide Number 8Development of New CoursesCourse CertificateCourse InstructionsFurther Improvements ComingWe Need Your Help!Contact UsQuestions
G2-Stump The Regulator 2016 Ver 4Stump the RegulatorStump the RegulatorSample questionsSample questionsSample questionsQuestions before we begin?Ok, then let’s see if you can �STUMP THE REGULATORS
G3-Whats New 2016 ver4What’s New ?What’s New?What’s New? Topics ListRecent PoliciesRecent PoliciesQuestions?Slide Number 7Defense of the Designee SystemDefense of the Designee SystemDefense of the Designee SystemDefense of the Designee SystemDefense of the Designee SystemQuestions?Slide Number 14What is DMS?What will DMS do?Current Deployment ScheduleElectronic 8110-3Questions?Slide Number 20Repairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepairs & AlterationsRepair SpecificationsRepair SpecificationsRepair SpecificationsRepair SpecificationsRepair SpecificationsRepair SpecificationsQuestions?Slide Number 42Additive ManufacturingAdditive ManufacturingAdditive ManufacturingAdditive ManufacturingAdditive ManufacturingAdditive ManufacturingAdditive ManufacturingQuestions?Slide Number 51What’s planned for in 8110.37FWhat’s planned for in 8110.37FWhat’s planned for in 8110.37FQuestions?Slide Number 5614 CFR Part 23 rewrite14 CFR Part 23 rewrite14 CFR Part 23 rewriteQuestions?
G4-Level of FAA Project Involvement2016 Ver 1Level of FAA Project InvolvementWhat is Level of Project Involvement (LOPI)?How does FAA determine LOPI?Why is FAA allowed to vary LOPI?FAA DiscretionHow does Risk equate to Level of Involvement?Where and how is the FAA involved based on risk “Levels”Why “Applicant Showing Only” is a benefitApplicant Showing Implementing an efficient LOPI decision process FAA Level of Involvement and DERsSummary
AM ChecklistLA UAS Type CertificationUAS Type Certification:UAS Type CertificationUAS Type CertificationSlide Number 4Slide Number 5Slide Number 6Slide Number 7Slide Number 8
LAACO Process ImprovementsIntroducing �LAACO Certification Process ImprovementsTable of ContentsObjectivesWhy These Improvements? The Accountability FrameworkHow FAA Improvements will Affect Applicant/LAACODefinitionsDefinitions (cont.) Project Prioritization (P2) P2 BenefitsRisk-Based Resource Targeting(a) (RBRTa) Applicant Showing OnlyApplicant Showing Only - CriteriaApplicant Showing Only - BenefitsChanges to How You Submit DataRevised PSCP Template Revised PSCP Template (cont.)Overall BenefitsQuestions?
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